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Melissa Geiger and Matt Whipp (KPMG) provide some guidance for corporate groups on what they should be doing next.

There are some imminent deadlines for the corporate interest restriction rules that groups may need to consider before Easter, explain Greig Simms and Chris Lallemand (Mazars).
 
Mike Lane and Zoe Andrews (Slaughter and May) provide this month’s review of tax developments affecting the City.
 
Tim Sarson (KPMG) reviews the latest developments that matter in the international tax world.
 
Ashley Greenbank (Macfarlanes) picks out some highlights in a year of political and economic turmoil.
 

Tax Journal commentaries on the UK's 'deeply political tax'.

Daniel Head and Kashif Javed (KPMG) assess some of the practical challenges facing corporate groups.
 
Zoe Wyatt and Miles Dean (Milestone International Tax Partners) examine the EC’s proposals surrounding a fair and efficient tax system in the EU for the digital single market.
 

Expert insight from advisers at Mayer Brown, Pinsent Masons and Clifford Chance.

The definition of ‘related’ in the hybrid rules is extremely broad. Dan Neidle and Jemma Dick (Clifford Chance) explain how this could potentially cause companies to be denied interest deductions on ordinary commercial loans.
 
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